Hello All
I feel remiss in not posting to my blog for some time. I will be adding to the blog with regularity in the near future.
There was a significant ruling put out by The Obama administration. HHS formed a commission to come up with what an essential benefits set would be as it relates to health insurance policies governed by the PPACA/ACA starting in 2014. The administration’s commission could not decide what benefits should be included and what should not be included. If they included all the benefits being lobbied for by patient and provider groups the cost of the resulting insurance premiums would have bankrupted the Federal Government. On the other hand if HHS and the commission were to exclude some of these benefits, these same groups would cause significant damage to the chances for re-election of the administration.
So what did they do? They punted to the states to make those decisions. Please read the article below to see how the states will be required to make those decisions. Dave Wiest, CBC…President…EMEX Benefit Systems
HHS Issues Essential Health Benefits Bulletin on Benchmarking
Gives States Greater Flexibility in Determining What’s Covered Under New Exchange Plans in 2014
On December 16, 2011, the Department of Health and Human Services (HHS) issued a bulletin outlining proposed policies and the approach it intends to pursue in rulemaking for defining Essential Health Benefits (EHB). Per the Patient Protection and Affordable Care Act (PPACA), beginning on January 1, 2014, non-grandfathered Individual and Small Group plans offered inside and outside the Exchanges must cover the EHB. In addition, PPACA prohibits the use of lifetime and annual limits on the dollar amount of EHB.
In developing the regulation, HHS stated that its aim is to balance comprehensiveness, affordability, and State flexibility. It is, therefore, proposing to allow each State to select an existing health plan as a “benchmark” to establish the services and items included in the Essential Health Benefits package for 2014 and 2015.
States will choose from one of four health insurance plan options as a benchmark:
- the largest plan based on enrollment in any of the three largest small group products in the State
- any one of the three largest State employee health plans
- any one of the three largest Federal employee health plan options
- the largest HMO plan offered in the State’s commercial market
HHS will propose that the default for States choosing not to set a benchmark will be the small group plan with the largest enrollment in the State. For 2016 and beyond, HHS would reassess the proposed benchmark process.
The bulletin did not address cost sharing, e.g., deductibles, copayments, and coinsurance, which will be covered in future guidance. Cost-sharing rules will determine the actuarial value of the plan. It also does not address how this state-by-state approach is to be applied to the ban on lifetime and annual limits for plans that cover people in multiple States.
However, the bulletin did reaffirm that Essential Health Benefits must include items and services within the following 10 benefit categories:
(1) ambulatory patient services,
(2) emergency services,
(3) hospitalization,
(4) maternity and newborn care,
(5) mental health and substance use disorder services, including behavioral health treatment,
(6) prescription drugs,
(7) rehabilitative and habilitative services and devices,
(8) laboratory services,
(9) preventive and wellness services and chronic disease management, and
(10) pediatric services, including oral and vision care.
Resources
HHS encourages public input on this proposal. Comments are due by January 31, 2012 and can be sent to: EssentialHealthBenefits@cms.hhs.gov
881 Meander Court
Medina, MN 55340
Phone: 763-478-9050
Toll Free 877-478-EMEX (3639)
Fax: 763-478-9014
Cell: 952-239-7374
W7602 Wallin Drive
Minong, WI 54859
715-466-4105
